Almost right
IR35 doesn't apply if you're working via a brolly - you're an employee of the brolly.
For tax relief on expenses under a brolly, the test is 'SDC' - are you subject to supervision, direction and control of the end client - which is only one of the 'employment' tests that IR35 considers.
If SDC does not apply, then you will probably have to claim back tax via your SATR.
I'm not sure what you mean when you say claim "straight through your end client". Unless your contract stipulates that your client reimburses you for expenses (pretty unusual, but not unheard of) then your expenses are nothing to do with them.
IR35 doesn't apply if you're working via a brolly - you're an employee of the brolly.
For tax relief on expenses under a brolly, the test is 'SDC' - are you subject to supervision, direction and control of the end client - which is only one of the 'employment' tests that IR35 considers.
If SDC does not apply, then you will probably have to claim back tax via your SATR.
I'm not sure what you mean when you say claim "straight through your end client". Unless your contract stipulates that your client reimburses you for expenses (pretty unusual, but not unheard of) then your expenses are nothing to do with them.
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